We act on a wide range of domestic and international tax disputes, advising multinational corporations on various corporation tax disputes with HMRC. This includes acting in all but one of the Group Litigation Orders (GLOs) challenging various elements of the UK’s tax legislation as being contrary to EU law.
We have expertise in all of the indirect taxes, particularly VAT and excise.
Transfer pricing disputes is a further area of expertise; we are experienced at dealing with HMRC enquiries and investigations and have been active in the highest profile and value transfer pricing disputes of recent years, including those involving Diverted Profits tax. This is an area we have been advising on since its introduction and we are proficient at reaching settlements with HMRC, including in obtaining significant penalty reductions.
Our team represents entrepreneurs and owner-managed businesses in sensitive or difficult tax disputes as well as high net worth individuals facing enquiries and criminal investigations. We work to resolve tax disputes through proactive cooperation and engagement with HMRC, resulting in a constructive working relationship, which enables us to deliver a high proportion of positive outcomes for clients.
“We can draw on experience from all areas of the domestic court and tribunal system, from the First-tier Tribunal to the Supreme Court. We have also represented clients in numerous references to the Court of Justice of the European Union and in high-value, business-critical tax disputes in foreign jurisdictions. We pride ourselves on our track record of delivering consistently strong outcomes for our clients.”